On November 22, the CFPB released its list of regulatory matters that it “reasonably anticipates having under consideration during the period from October 1, 2019 to September 30, 2020.”
On November 22, the CFPB released its list of regulatory matters that it “reasonably anticipates having under consideration during the period from October 1, 2019 to September 30, 2020.”
The CFPB announced its intent to publish an assessment report on the effectiveness of the TRID Rule.
On October 11, the CFPB announced a new task force to harmonize and modernize federal consumer financial laws.
On September 18th, the CFPB announced changes to its public consumer complaint database.
On July 25th, the CFPB issued an Advance Notice of Proposed Rulemaking (ANPR) requesting input on the so-called ‘GSE Patch.’
Insights from President Dr. Anurag Agarwal on how to streamline the redlining analysis process.
A summary of the FTC's proposed specific requirements and what to expect from the final rule.
Prescribing everyday solutions rather than one-time band-aids can yield a business infrastructure which is always forward-looking.
Asurity Technologies is pleased to announce the addition of Ed Kramer as a Senior Advisor on the Asurity team.
As government regulations over consumer lending fall into question, can the power of consumer reviews impact bank policies?